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What’s happening now? What’s coming?

What’s happening now? What’s coming?. Norm Varin March 20, 2014. Opening Joke (required). Today’s D iscussion. Shared Responsibility Taxes, Assessments, Fees State Legislative Update. Fine Print (thanks Josh Sears, Freestone Law, Chtd ).

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What’s happening now? What’s coming?

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  1. What’s happening now?What’s coming? Norm Varin March 20, 2014

  2. Opening Joke (required)

  3. Today’s Discussion Shared Responsibility Taxes, Assessments, Fees State Legislative Update

  4. Fine Print (thanks Josh Sears, Freestone Law, Chtd) This presentation and any materials and/or comments are training and educational in nature only and are not legal advice, and do not serve as a substitute for legal advice. No comment or statement in this presentation or the accompanying materials is to be construed as an admission. The presenter reserves the right to qualify or retract any of these statements at any time. Likewise, the context is not tailored to any particular situation and does not necessarily address all relevant issues or necessarily reflect the current state of the law in any particular jurisdiction or circumstance as of the time of the presentation. Parties participating in the presentation or accessing of these materials should engage competent counsel for consultation and representation in light of the specific facts and circumstances presented in their unique situation.

  5. This is advice and sometimes conjecture…

  6. Shared Responsibility Applicable to large employers… “An applicable large employer is an employer who employed an average of at least 50 “full-time employees” on business days during the preceding calendar year, as provided in Code Section 4980H(c)(2)(A).”

  7. Shared Responsibility Determining if you are a large employer… • in 2014 allow employers to choose to use either, or both, a [6-month] period to prepare to count their employees and a period afterward to ascertain and implement the results of the determination. • an employer not in existence during an entire preceding calendar year is an applicable large employer for the current calendar year if it is reasonably expected to employ an average of at least 100 full-time employees for 2015

  8. Shared Responsibility Determining if you are a large employer… • Number of full-time equivalents: add up all the hours of service in a month for employees who are not full-time and divide that aggregate number by 120. • Number of full-time employees • Special rule enables an employer that has more than 100 full-time employees solely as a result of seasonal employment to avoid being treated as an applicable employer. (120 days, or fewer)

  9. Shared Responsibility Determining if you are a large employer… Not Counted • Bona fide volunteers • Student Employees (work study) • Members of Religious Orders

  10. Shared Responsibility 2015: Applies to employer with 100+ employees For groups <100, transition relief: • Limited Workforce Size • Maintenance of Workforce & Aggregate Hours of Service • Maintenance of Previously Offered Health Coverage. • Certification of Eligibility for Transition Relief. 2016: Applies to employer with 50+ employees

  11. Shared Responsibility The “Offer” Requirement 2015: Transition Rule • offer coverage to >70% of full-time employees. 2016: Final Rule • offer coverage to >95% of eligible employees and dependents.

  12. Shared Responsibility 2015: Non-Calendar Year Transition Not required to comply with section 4980H until the start of their plan years in 2015… • Maintained non-calendar year plan before December 27, 2012, • Did not modify plan year after December 27, 2012, • Did not change eligibility rules after February 9, 2014. Group needs to have met one of two coverage tests. • the plan needs to have been either offering coverage to at least 33% of all employees or covering >25% of entire workforce, including part-time workers. • the group would have to demonstrate it has been offering coverage to >50% of all full-time employees or covering >33% of all full-time employees.

  13. Shared Responsibility Applicable to employees… an employee is an individual who is an employee under the common law standard, and an employer is the person that is the employer of an employee under the common law standard.

  14. Shared Responsibility Employee Eligibility • a “full-time employee” for any month is an employee who is employed for an average of at least 30 hours of service per week. The final regulations would treat 130 hours of service in a calendar month as the monthly equivalent of 30 hours of service per week (52 x 30) ÷ 12 = 130). • A seasonal employee is an employee in a position for which the customary annual employment is six months or less.

  15. Shared Responsibility Employee Eligibility • “ongoing employee” is generally an employee who has been employed by the employer for at least one complete standard look back measurement period.

  16. Shared Responsibility Minimum Essential Coverage (MEC) Under Code Section 5000A(f)(1), means coverage under any of the following: • a government-sponsored program, including coverage under Medicare Part A, Medicaid, the CHIP program, and TRICARE; • an “eligible employer-sponsored plan;” • a health plan offered in the individual market; • a grandfathered health plan; or • other health benefits coverage (such as a State health benefits risk pool) as the Department of Health and Human Services (“HHS”) recognizes.

  17. Shared Responsibility Minimum Essential Coverage (MEC) Does NOT mean coverage under any of the following: • Stand-alone HRAs that are not integrated with a group health plan; • HIPAA-excepted benefits such as: stand-alone vision or dental, cancer-only policies, indemnity plans (hospital or disease), accident or disability plans, on-site medical clinics and other types of coverage listed in PHSA §2791(c)

  18. Shared Responsibility Periods • initial measurement period need not be based on calendar months but instead may be based on months, • a standard look back measurement period is a defined time period of not less than three but not more than 12 consecutive calendar months • administrative period (<90 days) • a stability period – the first period in which the employer is required to provide health coverage to the employee – must be based on calendar months.

  19. Shared Responsibility Carrier Responsibility • Guarantee Issue • Guarantee Renewability • Participation

  20. Shared Responsibility Resources • http://www.irs.gov/uac/Newsroom/Questions-and-Answers-on-Employer-Shared-Responsibility-Provisions-Under-the-Affordable-Care-Act • NAHU • www.larrygrudzien.com

  21. Interim Joke (optional)

  22. Fees • Reinsurance • PCORI • Industry Fee • Other Fees

  23. Reinsurance • Temporary (think “tapered”) • 2014: $5.25 per member per month • 2015: $3.67 per member per month (proposed) • 2016: $?.?? • 2017: Done • Installments • Twice per year (1st and 4th quarter) • Possibility of ending early • Self-funded

  24. Patient-Centered Outcomes Research Institute • Who Pays • Fully insured medical - health plan pays; fee is built into rates. • Self funded medical • Health Reimbursement Account (HRA) Plan • How • Fee is reported using Form 720, “Quarterly Federal Excise Tax Return,” and paid directly to the IRS. • How Much • $2 per member for plan years ending on or after October 1, 2013

  25. Industry Fee • Purpose • fund premium subsidies or cost-sharing reductions on the exchanges. • How Much • divided proportionately between all health issuers • for-profit insurers will pay twice the amount as not-for-profit insurers. • not applicable to self-funded health plans. • increase premiums by 2%-2.5% percent in 2014 • increase premiums by 3%-4% percent after 2014 • not tax deductible

  26. Other Fees • Risk adjustment administration • $1 per member per year • Fully insured individual and small-group markets • not apply to large-group plans or self-funded • not apply to any grandfathered plans • Marketplace Administration • Federal fee 3.5% • Idaho current is 1.5%

  27. Other Fees (bonus) • Cadillac Excise Tax • 40 percent tax on annual premiums • generate revenue to finance health reform • 2018, the thresholds are • $10,200 for single coverage and • $27,500 for family coverage. • dollar amount over threshold will be taxed • Applies to.. • health insurance issuer and self-funded plans • will apply to both grandfathered and non-grandfathered plans

  28. Now the Legislative review…

  29. State Legislative Update

  30. State Legislative Update • Updates • Catastrophic Funds • Transparency • Politics

  31. Closing Joke (optional)

  32. What’s happening now?What’s coming? Norm Varin March 20, 2014

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